Live Export Compliance Seminar
Singapore
March 9-12, 2026
- Days
- Hours
- Minutes
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Singapore
March 09, 2026

Take the mystery out of U.S. export rules with training specifically for non-U.S. companies.
U.S. export regulations can affect activities of companies outside the United States in ways that often seem confusing and arbitrary. ECTI training for non-U.S. companies helps new and experienced compliance professionals alike to understand when their activities intersect with U.S. export controls, and how to navigate them.
Our expert instructors have decades of experience working with all U.S. export regimes – including Export Administration Regulations (EAR), International Traffic in Arms Regulations (ITAR) and Office of Foreign Assets Controls & Embargoes – as they apply to non-U.S. companies and affiliates that use, resell or reexport American products, technologies or services.
Our training seminars are appropriate for all export-related job functions at non-U.S. companies as well as affiliates of U.S. companies located outside the United States.
EARLY REGISTRATION DISCOUNT! Prices reflect early registration discount for registrations received prior to January 8, 2026. After that date, individual seminar tuition will increase by US$170 to US$1880 and BOTH seminars will increase by US$290 to US$3260. Register now to receive discounted tuition!
By registering for this event, you agree to our Terms of Use and Seminar Policies.
Scott Gearity
Principal Consultant – Trade Controls Consulting
Scott Gearity brings nearly 20 years of consulting, training, and corporate export compliance program management experience to bear for his clients. Mr. Gearity has substantial experience in military, dual-use, and commercial export controls.
Donald Pearce
Senior Advisor – Torres Trade Advisory
Donald Pearce, a retired Special Agent from the U.S. Commerce Department’s Bureau of Industry and Security (BIS), leverages his expertise in trade controls, investigations, and national security to advise clients on export compliance.

Why should I attend?
The ability to navigate the relevant regulations is a valuable specialty that offers these benefits to you and your non-U.S. organization:
- Better understanding of requirements around reselling and reexporting U.S. content
- Improved navigation of U.S. export laws and documentation
- Faster identification of requirements for specific products, services and technologies
- Updated knowledge on changes in the rules that affect you
- Shortened approval timelines
- Reduced risk of costly complications that can delay transactions and raise red flags for regulators
- Enhanced reputation among trading partners
- Competitive advantage in trade with U.S. entities and around the world
- Increased supply chain security
8:30 AM – 9:00 AM
9:00 AM – 12:00 PM
12:00 PM – 1:00 PM
1:00 PM – 5:00 PM
Export Controls Overview
- Overview of U.S. Export Controls; What is Subject to Export Controls?
- Primary Regulations (ITAR/EAR/OFAC)
- International Export Regulation
- Introduction to the International Traffic in Arms Regulations (ITAR) & Defense Trade Policy
- Directorate of Defense Trade Controls (DDTC)
- Arms Export Control Act (AECA)
- Compliance Resources & Information
Controlled Items & Activities
– with EXERCISES WORKSHOP
- Key Analysis Steps for ITAR Compliance / When the ITAR Applies
- ITAR-Controlled Items
- Defense Articles; Technical Data and What is not Technical Data; Defense Services
- United States Munitions List (USML) & Identifying ITAR vs. EAR-Controlled Items
- Order of Review
- The Meaning of “Specially Designed”
- Controls on Non-U.S. Items Containing U.S. Content
- Controls on Non-U.S. Items Produced Using U.S. Technology
- Commodity Jurisdiction (CJ) Requests, Issues, and Resources
- Highly Restricted Items and Significant Military Equipment (SME)
- ITAR-Controlled Activities: Exports, Reexports & Retransfers
- Name Changes, Mergers & Acquisitions, Brokering / Manufacturing of Defense Articles Outside the U.S.
- Temporary Imports / Permanent Imports
- Activities Not Regulated by the ITAR
- Prohibited Countries & Debarred Parties
Licenses
- Types of DDTC Licenses
- Supporting the U.S. Exporter’s Licensing Efforts
- Supporting Documents for Hardware Licenses
- Application Package
- Reexport/Retransfer Approvals for Non-U.S. Companies
Reexport/Retransfer License
- Reexport/Retransfer License Applications
- Foreign Military Sales (FMS) Third Party Transfers
Agreements and U.S. Government Approval
- Types of DDTC Agreements: Manufacturing License Agreements Technical Assistance Agreements, & Warehouse and Distribution Agreements
- Agreement Structure
- Agreement Application & Agreement Guidelines
- TAA and MLA Issues and Requirements, Handling Hardware in Agreements
- Sublicensing, Sublicensing vs. Signatory
- Dual/Third Country National Employees and Provisions for NATO+
- Australia/Canada/Netherlands 3rd/Dual Nationals
- Foreign Persons Coverage on Agreements
- Information that a Non-US Party Should Provide to US Agreement Applicant
- Warehouse & Distribution Agreements / How Does The US Exporter Get a WDA Approved?
U.S. Government Approval
– with EXERCISES WORKSHOP
- Information Non-US Parties Should Request After Agreement Approval
- Agreement Amendments / Application Processing Issues
- U.S. Government Review Process
- Congressional Notification / Processing Times
- Expedited Licensing Programs
- Checking License Status
- End-Use Checks
Exemptions
– with EXERCISES WORKSHOP
- Exemptions Available to U.S. Exporters
- Foreign Military Sales / Allies Maintenance Exemption
- Tech Data Exemptions for US Exports
- NATO+ Reexport or Retransfer Exemption
- Exemption for Reexports to Dual and Third Country National Employees of Non-U.S. Entities
- Basic Marketing Information Exclusions and Public Domain
- Country-Based Exemptions: Australia, Canada and the United Kingdom
Special Issues
- Exporting Defense Articles to the U.S.
- Permanent and Temporary Imports into the U.S. (Including Repairs)
- What to Do If Exemptions are Not Available?
- Return of Items Received From the U.S. Under DSP-73
- Procurement in the U.S.
Brokering
- “Who is a Broker?”; Brokering Activities and Exclusions From These Activities
- Registration, What Requires Approval, Exemptions, Exemption Exclusions & Reporting
Political Contributions, Fees & Commissions
– with EXERCISES WORKSHOP
- Threshold and Reporting Requirements
- Defining Applicants, Suppliers & Vendors
- Supplemental Reports
Compliance Programs
- Key Elements, Considerations & Procedural Approaches
- ICP Procedure Priorities for Companies Outside the U.S.
- Compliance Training / Automation / ICP Guidance and Tips
- Risk Assessment & U.S. Government Program Recommendations
Recent Developments
- Latest Regulatory Changes
- Other Recent Developments in the ITAR
ITAR Export Enforcement
- Enforcement Agencies & Methods
- Common ITAR violations
- Fines & Penalties, Possible Outcomes in ITAR Penalty Cases
- Additional, Informal “Sanctions”
- When Violations are Discovered / Voluntary Disclosures
- Trends in Enforcement
- Enforcement Case Studies
*Timing and Order of agenda items subject to change
Introduction to the Export Administration Regulations
- U.S. Export Control Policies & Key Control Concepts
- Comparison to International Regime
- Why Should a Non-U.S. Company Comply?
- What is Subject to Export Controls? Commodities, Software, Technology/Technical Data
- Regulated Activities: Exports, Reexports, Transfers, Deemed Exports and Reexports, U.S. Person Activities
- Primary U.S. Export Control Regulations
- International Traffic in Arms Regulations (ITAR)
- Export Administration Regulations (EAR)
- Office of Foreign Assets Control (OFAC) Sanctions Regulations
- Extraterritoriality of Rules
EAR Controls
- STEP 1: Who Are You? How U.S. Rules Apply to Non-U.S. Companies and Non-U.S. Persons
- Controls on U.S. Persons & U.S. Subsidiary Activities
- Controls on U.S. Persons & U.S. Subsidiary Activities
- STEP 2: Sensitive U.S. Content Always Subject to Controls
- Introduction to Foreign Direct Products of U.S. Technology
- 600-Series and 9X515 ECCNs Sensitive Content
- United States Munitions List (USML) Content
- STEP 3: U.S. Content De Minimis Rules
- De Minimis Rules for Hardware & Software
- Rule of Second Incorporation
- What is a Discrete Product for 2nd Incorporation?
- De Minimis Rules: Software With or in Hardware
- Software Bundling & Technology Reports
- Foreign Direct Product Rules: National Security, 9x515, 600 Series
- STEP 4: Export Control Classification
- De Minimis Rules for Hardware & Software
- Rule of Second Incorporation
- What is a Discrete Product for 2nd Incorporation?
- De Minimis Rules: Software With or in Hardware
- Software Bundling & Technology Reports
- Foreign Direct Product Rules: National Security, 9x515, 600 Series
- Technology & Software Classification
- Defining Technology / Reexport of Technology and Source Code
- Reexport Examples of Technology and Software
- Technology and Software Classification
- Items Not Subject to the EAR, “Published” Software & Technology
- Determining the ECCN of Technology and Software
- STEP 5: “No License Required” Determination – with EXERCISES WORKSHOP
- Steps to Arrive to NLR Determination
- Using the Commerce Country Chart to Guide in Determination
- NLR with an Example / EAR99 and NLR
- STEP 6: License Exceptions
- Two Types of License Exceptions
- Country Groups / Restrictions on License Exceptions
- ECCN-based License Exceptions (GBS, LVS, STA )
- Situation-based License Exceptions (RPL, TMP, GOV, APR)
- Technology & Software License Exceptions (TSU, TSR, ENC, TMP)
- Foreign Direct Products / Controlled US Content & De Minimis (Reviews from Step 2 and 3)
- STEP 7: End-Use and End-User Controls – with EXERCISES WORKSHOP
- Restricted Parties; Embargoed Countries; Proliferation Activities
- Military End-Use/User Rule (Belarus, Burma, Cambodia, China, Nicaragua, Russia, & Venezuela
- Other Military End-Use/User Restrictions
- Red Flags, General Prohibitions, Antiboycott
- Applying for a Bureau of Industry & Security License
- Reasons for Applying for a License
- SNAP-R Electronic Filing / Tell the Story of Your Application
- Support Documents / Dual/Third Country Nationals
Sanctions
– with EXERCISES WORKSHOP
- U.S. Sanctions & Export/Reexport Controls Overview; Specially Designated Nationals
- Office of Foreign Assets Control: Smart Sanctions and Who These Rules Apply to
- Embargoed Country Considerations and Destinations: Cuba, Iran, North Korea & Syria
- Other OFAC Sanctions Programs
- OFAC Licensing & Approval Policies
- Important OFAC Sanctions Concepts
Compliance Programs
- Why Have a Compliance Program?
- Considerations & Procedural Approaches
- Internal & External Compliance Resources
- Where to Get Started
- USG Compliance Program Recommendations & BIS Core Elements
- Management Commitment
- Risk Assessment
- Formal Written Compliance Program
- Ongoing Compliance Training & Awareness
- Compliance Throughout the Export Cycle
- Recordkeeping Regulatory Requirements
- Compliance Monitoring & Audits
- Handling Violations
- Corrective Action in Response to Export Violations
- Practical Aspects of Successful Compliance
- Automate Reexport Compliance
- Other Considerations: Foreign National Employees/Visitors, Procurement, Information on Servers, Emails, Hand-Carry Exports
- Keys to Long Term Success
Recent Developments
- Latest Regulatory Changes
- Other Recent Developments in the EAR
- OFAC Sanctions Updates
EAR & OFAC Export Enforcement
- How U.S. Rules are Enforced Outside the U.S.
- U.S. Export Enforcement Agencies
- Statutory & Other Penalties, Possible Outcomes in EAR Penalty Cases
- Determining EAR Administrative Sanctions
- Fines and Penalties OFAC, Possible Outcomes in OFAC Penalty Cases
- Voluntary Self-Disclosures to the U.S. Government
- Preventing Violations
- Enforcement Case Studies
*Timing and Order of agenda items subject to change
Guest Room Reservation
VENUE:
One Farrer Hotel
1 Farrer Park Station Road Singapore 217562
Phone: +65 6363 0101
*The cost of accommodation is not included in the seminar tuition.
Rooms are available on a first-come, first-served basis. Book early to ensure availability and to receive the best rate.
Guest room rate: S$275 Single/Double
To book your room and receive the group rate, complete the booking form and email to geraldinewong@onefarrer.com.

Health & Safety Notice:
The health and safety of our customers and employees is of critical importance to ECTI. We continue to monitor any public health concerns, and we are committed to meet or exceed applicable guidelines or requirements to ensure the safety of our attendees and speakers.
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ECTI’s training sessions are a “must have” for anyone having a key role in their company’s Export Control Program. ECTI is always improving and updating their program. This is my 3rd time at this seminar.
Joseph Prezioso
Senior Quality Engineer, Consolidated Industries, Inc.
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Presenters are extremely knowledgeable and engaging. Real world knowledge and practical guidance! I really enjoy the conference (3rd time attending) and always learn something new.
Bryon Relyea
Sr. Trade & Import Compliance Specialist, Avantor
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This was my first experience with ECTI, but it will not be my last. I’ve taken many similar courses over the years, and this was the best. Scott was excellent and his experience in the industry made the course material more accessible and easy to understand.
William Gregory
UltiSat, Inc.